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Andrew  H.  Wilson 
WILSON,  RYAN  &  CAMPILONGO 
235  Montgomery  Street 
Suite  450 

San  Francisco,  California  94104 
(415)  391-3900 

Laurie  J.  Bartilson 
BOWLES  &  MOXON 
6255  Sunset  Boulevard 
Suite  2000 

Hollywood,  California  90028 
(213)  661-4030 

Attorneys  for  Plaintiff 

CHURCH  OF  SCIENTOLOGY  INTERNATIONAL 


SUPERIOR  COURT  OF  THE  STATE  OF  CALIFORNIA 
FOR  THE  COUNTY  OF  MARIN 


CHURCH  OF  SCIENTOLOGY  ) 

INTERNATIONAL,  a  California  ) 
not-for-profit  religious  ) 

corporation;  ) 

Plaintiff,  ) 

) 

vs.  ) 

) 

GERALD  ARMSTRONG;  DOES  1  ) 

through  25,  inclusive,  ) 

) 

Defendants.  ) 

_ _ ) 


Case  No. 

REQUEST  FOR  JUDICIAL 
NOTICE  IN  SUPPORT  OF 
MOTION  FOR  PRELIMINARY 
INJUNCTION 


Date:  February  14,  1992 

Time: 

Dept. : 


Pursuant  to  California  Evidence  Code  Sections  452(d)  and  453, 
Plaintiff  respectfully  requests  that  this  Court  take  judicial 
notice  of  the  following: 

1.  A  true  and  accurate  copy  of  Substitution  of  Attorney 
filed  in  the  United  States  District  Court,  Central  District,  State 
of  California,  in  Case  No.  CV8-1786-WDK  in  the  case  entitled 
Aznaran  v.  Church  of  Scientology  of  California,  Inc.,  et  al.  (the 

"federal  Aznaran  case")  attached  hereto  as  Exhibit  A; 


2. 


A  true  and  accurate  copy  of  Substitution  of  Attorney 


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filed  in  the  Aznaran  federal  case,  attached  hereto  as  Exhibit  B; 

3 .  A  true  and  accurate  copy  of  Substitution  of  Attorneys 

filed  in  the  federal  Aznaran  case,  attached  hereto  as  Exhibit  C; 

4 .  A  true  and  accurate  copy  of  Substitution  of  Attorneys 

filed  in  the  federal  Aznaran  case,  attached  hereto  as  Exhibit  D; 

5.  A  true  and  accurate  copy  of  Reporter's  Transcript  of 
August  6,  1991  before  the  Honorable  Raymond  Cardenas  in  the  matter 
of  Religious  Technology  Center,  et  al.  v.  Joseph  A.  Yannv.  et  al., 

filed  in  the  Superior  Court  of  the  State  of  California,  County  of 
Los  Angeles,  in  Case  No.  BC033035  (the  "Los  Angeles  state 
action"),  attached  hereto  as  Exhibit  E;  and 

6.  A  true  and  accurate  copy  of  Declaration  of  Gerald 
Armstrong  in  Opposition  to  Motion  for  Temporary  Restraining  Order 
filed  on  July  23,  1992  in  the  Los  Angeles  state  action,  attached 
hereto  as  Exhibit  F; 

7.  A  true  and  accurate  copy  of  Declaration  of  Joseph  A. 
Yanny  in  Opposition  to  Preliminary  Injunction  filed  on  July  31, 
1991  in  the  Los  Angeles  state  action,  attached  hereto  as  Exhibit 
G; 

8.  A  true  and  accurate  copy  of  Minute  Order  filed  in  the 
Los  Angeles  state  action,  attached  hereto  as  Exhibit  H; 

9.  A  true  and  accurate  copy  of  Preliminary  Injunction  filed 
in  the  Los  Angeles  state  action,  attached  hereto  as  Exhibit  I; 

10.  A  true  and  accurate  copy  of  Declaration  of  Gerald 
Armstrong  filed  in  Opposition  to  Motion  for  temporary  Restraining 
Order,  attached  hereto  as  Exhibit  J; 

11.  A  true  and  accurate  copy  of  Declaration  of  Gerald 
Armstrong  in  Opposition  to  Motion  for  Temporary  Restraining  Order, 


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attached  hereto  as  Exhibit  K; 

12 .  A  true  and  accurate  copy  of  Declaration  of  Gerald 
Armstrong  Regarding  Alleged  "Taint"  of  Joseph  A.  Yanny,  Esq.  filed 
in  the  Aznaran  federal  case,  attached  hereto  as  Exhibit  L; 

13 .  A  true  and  accurate  copy  of  Declaration  of  Ford  Greene 
Regarding  Alleged  "Taint"  of  Joseph  A.  Yanny,  Esq.  filed  in  the 
Aznaran  federal  case,  attached  hereto  as  Exhibit  M; 

14 .  A  true  and  accurate  copy  of  Declaration  of  Gerald 
Armstrong  in  Opposition  to  Motion  to  Exclude  Expert  Testimony 
filed  in  the  Aznaran  federal  case,  attached  hereto  as  Exhibit  N; 

15.  A  true  and  accurate  copy  of  Order  Vacating  Court's  Prior 
Approval  of  Substitution  of  Counsel  and  Order  Approving 
Plaintiffs'  Request  to  Be  In  Pro  Per,  filed  in  the  Aznaran  federal 
case,  attached  hereto  as  Exhibit  O;  and 

16.  A  true  and  accurate  copy  of  Declaration  of  Gerald 
Armstrong  in  Support  of  Defendant  and  Cross-Complainant's 
Opposition  to  Notice  of  Motion  and  Motion  to  Enforce  Settlement 
Agreement;  for  Liquidated  Damages  and  to  Enjoin  Future  Violations, 
attached  hereto  as  Exhibit  P;  and 

17.  A  true  and  accurate  copy  of  Declaration  of  Gerald 
Armstrong  filed  on  or  about  October  17,  1991  in  the  matter  of 
Church  of  Scientology  California,  et  al.  v.  Gerald  Armstrong. 

Superior  Court  of  the  State  of  California,  County  of  Los  Angeles, 
Case  No.  C420153,  attached  hereto  as  Exhibit  Q. 

/  /  / 

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/  /  / 


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18.  A  true  and  accurate  copv  of  Wakefield  v.  The  Church  of 

— — — —  

Scientology  (11th  Circuit,  1991), _  F.2d  _ ,  attached  hereto  as 


Exhibit  Ryf 
Dated: 


:ampilongo 


Linda  M.  Fong/ 

Attorneys  for  Pllaintiff 
Church  of  Scientology 
International 


SCI02.003 

REQ.JUD.NOT. 


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